3721 Crown – Evidence of Peter Rough – Landscape 10-12-2015.Pdf

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3721 Crown – Evidence of Peter Rough – Landscape 10-12-2015.Pdf BEFORE THE CHRISTCHURCH REPLACEMENT DISTRICT PLAN HEARINGS PANEL IN THE MATTER of the Resource Management Act 1991 and the Canterbury Earthquake (Christchurch Replacement District Plan) Order 2014 AND Stage 3 of the Christchurch Replacement District Plan SECOND STATEMENT OF EVIDENCE OF PETER ROUGH ON BEHALF OF THE CROWN (SUBMITTER #3721) NATURAL AND CULTURAL HERITAGE HEARING Landscape Dated 10 December 2015 Barristers and Solicitors Christchurch Solicitor Acting: Cedric Carranceja / Emma Moore Email: [email protected] / [email protected] Tel 64 3 379 1747 Fax 64 3 379 5659 PO Box 322 DX WX11135 Christchurch 8140 Counsel Acting: Paul Radich QC Tel 64 4 974 5951 Fax 64 4 974 5955 PO Box 10731 Wellington 6143 TABLE OF CONTENTS 1. INTRODUCTION ............................................................................................. 2 2. CODE OF CONDUCT ...................................................................................... 2 3. SCOPE OF EVIDENCE ................................................................................... 3 4. EXECUTIVE SUMMARY ................................................................................. 3 5. EVOLUTION OF THE LANDSCAPE OF THE CHRISTCHURCH DISTRICT ... 5 6. NATURAL CHARACTER ................................................................................. 8 7. OUTSTANDING NATURAL FEATURES AND LANDSCAPES....................... 16 8. AMENITY FEATURES AND LANDSCAPES .................................................. 21 9. POTENTIAL ADVERSE EFFECTS OF SUBDIVISION, USE AND DEVELOPMENT ON OUTSTANDING NATURAL FEATURES OR LANDSCAPES, SIGNIFICANT FEATURES OR LANDSCAPES, RURAL AMENITY LANDSCAPES AND IMPORTANT RIDGELINES IN THE DISTRICT ...................................................................................................................... 27 10. EVIDENCE OF YVONNE PFLÜGER ............................................................. 42 APPENDIX PR1 – LIST OF DOCUMENTS ........................................................... 44 APPENDIX PR2 – RIVER ENVIRONMENT MAP ................................................ 45 APPENDIX PR3 – VISUAL AMENITY LANDSCAPES AND IMPORTANT RIDGELINES ....................................................................................................... 46 Page 1 1. INTRODUCTION 1.1 My full name is Peter Rough. I am a Landscape Architect employed by Rough and Milne Landscape Architects Limited and I am a director of that company. 1.2 This is the third statement of evidence I have prepared on the Christchurch Replacement Plan ("Replacement Plan"). My first statement of evidence was provided for the hearing on the Stage 1 Commercial and Industrial Proposals.1 My second statement was provided for the hearing on Stage 2 Proposal 17 (Rural) ("my Rural Proposal evidence").2 I continue to support the views I expressed in those statements of evidence. In this evidence, rather than repeating my Rural Proposal evidence, I will adopt and build on that evidence. 1.3 A summary of my qualifications and relevant past experience is contained in paragraphs 1.1 to 1.6 of my Rural Proposal evidence. 1.4 My evidence addresses issues relating to the natural character, landscape, features and visual amenity values of the Christchurch District ("District"), having particular regard to the provisions of the Proposals3 that are to be heard at the Natural and Cultural Heritage hearing ("Natural and Cultural Heritage provisions"). 2. CODE OF CONDUCT 2.1 I have read the code of conduct for expert witnesses as contained in the Environment Court's Practice Note 2014. I have prepared my evidence in accordance with the Code and agree to abide by it when I give oral evidence before the Hearings Panel. 2.2 The data, information, facts and assumptions I have considered in forming my opinions and the reasons for those opinions are set out in my evidence to follow. I confirm that my evidence is within my area of expertise, except where stated otherwise. I have not omitted to consider material facts known to me that alter or detract from the opinions I express in this statement of evidence. 1 http://www.chchplan.ihp.govt.nz/wp-content/uploads/2015/03/1387-Stirling-and-Anor-Statement-of-Evidence-of- Peter-Rough-CommercialIndustrial-24-4-15.pdf ; and attachments: http://www.chchplan.ihp.govt.nz/wp- content/uploads/2015/03/1387-Stirling-and-Anor-Graphic-Supplement-to-Evidence-of-Peter-Rough- CommercialIndustrial-24-4-15.pdf 2 http://www.chchplan.ihp.govt.nz/wp-content/uploads/2015/07/2387-Crown-Peter-Rough-Landscape-Stage-2- Rural-29-10-15.pdf 3 Stage 3 Proposal 9 (Natural and Cultural Heritage), Stage 1 Proposal 8 (Subdivision), Stage 1 Proposal 16 (Industrial), Stage 3 Proposal 7 (Transport), Stage 3 Proposal 8 (Subdivision), Stage 3 Proposal 11 (Utilities and Energy) and Stage 3 Proposal 17 (Rural). Page 2 3. SCOPE OF EVIDENCE 3.1 I have been asked by the Crown to consider values associated with natural character, natural features and landscapes and amenity features and landscapes of the District, and to address potential adverse effects on the District's natural character, features and landscapes and amenity features and landscapes. My evidence: (a) Considers the evolution of the landscape of the District; (b) Provides an overview of the District's natural character, natural features and natural landscapes and consideration as to whether these are addressed or not in the Replacement Plan; (c) Considers potential adverse effects that subdivision, use and development could have on the District's natural character, natural feature and natural landscapes and whether or not, in relation to these potential effects, the objectives, policies, rules and assessment matters in the version of Topic 9.2 of Proposal 9 attached to Ms Shirley Ferguson's evidence on behalf of the Council ("Revised Topic 9.2") and the other revised Natural and Cultural Heritage provisions are appropriate; and (d) Comments briefly on Ms Yvonne Pflüger’s response, in her evidence on behalf of the Council, to consideration of specific submissions. 3.2 In preparing my evidence I have read the evidence of Anna Cameron on behalf of the Crown and the evidence of Ms Pflüger, especially, on behalf of the Council. I have included a list of the documents I have read in preparing my documents as Appendix PR1. 4. EXECUTIVE SUMMARY Evolution of the landscape of the Christchurch District 4.1 In order to provide context for values associated with natural character, natural features and landscapes and amenity features and landscapes my evidence addresses the evolution of the Plains part of the District (the evolution of the Peninsula part of the District having been outlined in my Rural Proposal evidence). In essence, natural features and areas of natural landscape that have prevailed since the time of Maori and early European Page 3 settlement are small remnants, or are now modified and/or require management. Natural character 4.2 It is my opinion that the Christchurch District contains areas of outstanding, very high and high natural character within the coastal environment and, from my knowledge of Banks Peninsula, I generally concur with the way in which the degree of natural character has been mapped in the Banks Peninsula Addendum Report and the Christchurch City Landscape Study and mapped as overlays on the Stage 3 planning maps. 4.3 It is also my opinion that the District has numerous wetlands, a lake and part of another lake, several rivers and numerous named and unnamed streams. I concur with how these have been evaluated for natural character in the Christchurch City Landscape Study. Outstanding natural features and landscapes 4.4 It is my opinion that the District contains outstanding natural features and landscapes and I generally concur with how these have been identified and delineated in the landscape studies and on the Stage 3 planning maps. Amenity features and landscapes 4.5 It is my opinion that the District contains features and landscapes which, while not having sufficient natural values to be accorded section 6(b) status in terms of the Resource Management Act 1991 ("Act"), have other values that enable them to be regarded under section 7(c) of the Act. I concur with the Rural Amenity Landscapes on Banks Peninsula and the Port Hills and also the Significant Features and Landscapes, as they have been identified and mapped in landscape studies and the Stage 3 planning maps. Potential adverse effects of activities 4.6 In my opinion urbanisation, plantation forestry, wilding trees, quarrying, the formation of roads and access tracks, utilities and navigational aids are land uses and activities that have the most potential to adversely affect the natural character and integrity of outstanding natural features or landscapes, significant features or landscapes, rural amenity landscapes and important ridgelines in the District. I support plan provisions that enable Page 4 the consideration of potential adverse effects of these activities within the District. Comments on revised versions of Natural and Cultural Heritage provisions 4.7 I generally support the revised Natural and Cultural Heritage provisions to the extent that they address landscapes, features and coastal natural character. However, I consider that the further amendments sought in Ms Cameron's evidence are appropriate. 5. EVOLUTION OF THE LANDSCAPE OF THE CHRISTCHURCH DISTRICT 5.1 Broadly speaking, the District is composed of two landscape types, namely: (a) a portion of the Canterbury Plains ("the Plains"),
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